Southwest Transmission Cooperative, Inc. v. Arizona Corp. Commission

142 P.3d 1240, 213 Ariz. 427, 486 Ariz. Adv. Rep. 32, 2006 Ariz. App. LEXIS 108, 2006 WL 2597974
CourtCourt of Appeals of Arizona
DecidedSeptember 12, 2006
Docket1 CA-CV 05-0369
StatusPublished
Cited by4 cases

This text of 142 P.3d 1240 (Southwest Transmission Cooperative, Inc. v. Arizona Corp. Commission) is published on Counsel Stack Legal Research, covering Court of Appeals of Arizona primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Southwest Transmission Cooperative, Inc. v. Arizona Corp. Commission, 142 P.3d 1240, 213 Ariz. 427, 486 Ariz. Adv. Rep. 32, 2006 Ariz. App. LEXIS 108, 2006 WL 2597974 (Ark. Ct. App. 2006).

Opinion

OPINION

OROZCO, Judge.

¶ 1 The issue on appeal is whether the superior court correctly affirmed the Arizona Corporation Commission’s (Commission) decision concluding that Southwest Transmission Cooperative, Inc. (SWTC), is a public service corporation pursuant to Article 15, Section 2, of the Arizona Constitution and is therefore subject to the Commission’s regulation pursuant to Article 15, Section 3. We affirm the superior court’s decision because SWTC satisfies the definition of a public service corporation by furnishing electricity for light, fuel or power and is an entity “clothed with a public interest” under the eight factors first articulated in Natural Gas Serv. Co. v. Serv-Yu Coop., 70 Ariz. 235, 219 P.2d 324 (1950). Because we conclude SWTC is a public service corporation, we do not consider the issue of whether it is a common carrier pursuant to Article 15, Section 10.

FACTS AND PROCEDURAL HISTORY

¶ 2 In the superior court proceedings, the parties stipulated to the facts; on appeal, the parties agree that the facts are undisputed. In 1999, SWTC, a non-profit Arizona rural electric transmission cooperative, was organized under Arizona Revised Statutes (A.R.S.) sections 10-2121 to -2149 (2004), in anticipation of the restructuring of the Arizona Electric Power Cooperative (AEPCO), an Arizona non-profit rural electric generation and transmission cooperative. The Commission previously determined that AEPCO was a public service corporation under Article 15, Section 2, of the Arizona Constitution, subjecting it to the Commission’s jurisdiction. After restructuring in 2001, AEPCO separated into three cooperative corporations. 1 AEPCO retained the generation function, and SWTC purchased AEPCO’s transmission business, including the transmission facilities and assets and rights to transmit electricity under various agreements. A third entity, Sierra Southwest Cooperative Services, Inc., was created to operate as an electric service provider.

¶ 3 As a rural electric transmission cooperative, SWTC provides or contracts to provide only wholesale transmission service between the electric generator and electric distribution cooperatives; it does not provide retail service or transmit electricity for direct consumption by end users.

¶ 4 SWTC provides transmission service to its membership (those owning facilities at a substation interconnected with SWTC’s transmission system) and to non-members (those entities or natural persons entitled to use its transmission services pursuant to Section 211 of the Federal Power Act, 16 U.S.C. *429 § 824(j) (2000)). In either case, the parties enter into contracts or agreements for transmission service with SWTC.

¶ 5 Qualified applicants must comply with membership requirements and be approved by SWTC’s Board of Directors. SWTC may decline service to a member if the entity does not meet membership qualifications in SWTC’s bylaws, if the parties cannot agree on a transmission service contract, if SWTC cannot provide the requested service, has insufficient capacity or if the entity will not follow SWTC’s operating and other rules. SWTC may also deny service to non-members if it expects revenues from all nonmembers to total more than fifteen percent of its annual revenues, which would cause SWTC to lose its tax-exempt status.

¶ 6 As a “transmitting utility” under the Federal Power Act providing only transmission service in interstate commerce, SWTC is financed and regulated by the Rural Utilities Service (RUS), a division of the United States Department of Agriculture. RUS must approve SWTC’s terms of service, contracts, management and other matters. When rates are not subject to state regulation, SWTC must obtain RUS rate approval. RUS must approve all transmission service contracts. RUS also requires that revenue from contracts for service to distribution cooperatives and other sources be sufficient to meet SWTC’s operating and maintenance expenses, the cost of transmission service, and principal and interest payments on its debt. RUS’s primary concerns are the financial viability of the cooperative and the provision of reliable power to rural areas at a reasonable price. RUS may, but does not normally, review retail rates of electric distribution cooperatives.

¶ 7 As a transmitting utility, SWTC is also subject to limited jurisdiction of the Federal Energy Regulatory Commission (FERC) under Section 211 of the Federal Power Act. SWTC maintains an Open Access Transmission Tariff to meet the requirements for reciprocity under FERC Order No. 888. 2

¶ 8 On April 30, 2002, SWTC filed an application with the Commission seeking a declaration that it was not a public service corporation pursuant to Article 15, Section 2, of the Arizona Constitution and was therefore not subject to regulation by the Commission pursuant to Article 15, Section 3.

¶ 9 SWTC argued that it was not a public service corporation because it does not furnish electricity for light, fuel or power. Rather, SWTC contended that it transmits electricity at wholesale to other utilities for resale. SWTC also asserted that based on prior ease law, the nature of its business operations and its corporate structure compelled the conclusion that it was not a public service corporation. SWTC further argued that regulatory policy supported the view that SWTC need not be regulated as a public service corporation partly because, as a non-profit cooperative, it set rates only to cover costs of operation, necessary financial reserves and mortgage requirements. Additionally, SWTC asserted that because it was subject to oversight by FERC and RUS, the need for additional regulation by the Commission was diminished. Finally, SWTC argued that the Commission continued to retain control over the final retail rate distributors charged because the Commission has full jurisdiction to address concerns regarding the appropriateness of the wholesale transmission cost component in the context of its authority over retad rates.

¶ 10 The Commission staff disputed SWTC’s assertion that it did not furnish electricity for power and argued that the constitutional definition of a public service corporation did not exclude a wholesale provider. The Commission staff further argued that the Serv-Yu factors and case law supported a finding that SWTC was a public service corporation subject to the Commission’s jurisdiction. The staff also contended that SWTC is currently regulated by FERC, RUS and to a limited extent the Commission.

¶ 11 On March 12, 2004, the Commission issued Decision No. 66835 finding that SWTC was a public service corporation. The Corn- *430 mission concluded that, under the language of Article 15, Section 2, SWTC “furnished” electricity to the distribution cooperatives that in turn furnished it to end users. The Commission found no evidence that Article 15, Section 2 was intended to foreclose jurisdiction over wholesale providers of electricity such as SWTC and that the nature of SWTC’s business, case law and prior Commission decisions supported finding that SWTC was a public service corporation.

¶ 12 SWTC sought judicial review of the Commission’s decision pursuant to A.R.S.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Cite This Page — Counsel Stack

Bluebook (online)
142 P.3d 1240, 213 Ariz. 427, 486 Ariz. Adv. Rep. 32, 2006 Ariz. App. LEXIS 108, 2006 WL 2597974, Counsel Stack Legal Research, https://law.counselstack.com/opinion/southwest-transmission-cooperative-inc-v-arizona-corp-commission-arizctapp-2006.